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Treaty between Singapore and Japan – Singapore decision: Unutilized losses of de-registered branch allowed for offset against profits of re-registered branch of a foreign company

|Treaty Development|Japan; Singapore
Japan; Singapore

The Income Tax Board of Review gave its decision recently in the case of AYN v The Comptroller of Income Tax ([2012] SGITBR1) on the availability of unutilized tax losses for offset against the profits of a foreign branch in Singapore. Details of the decision are summarized below.


(a) Facts. In 1992, a Japanese company called AYN Corporation (the Apellant) registered a branch i…

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